Since the beginning of the LSRP program, the discharge reporting requirements for LSRPs have not been clear. At the Site Remediation Advisory Group meeting on March 9, 2015, representatives of the NJDEP cleared up the following:

LSRPs are not required to report a Responsible Party that is not in compliance with the May 2016 statutory deadline for Remedial Investigation Completion.

An LSRP that is retained for a specific Area of Concern (AOC) at a site is not responsible for reporting discharges elsewhere on the site. Please note that an LSRP is still responsible for reporting IEC conditions even if they are not the retained LSRP.

The NJDEP has updated several Guidance Documents Since January 2016. Among them: